ATO turns spotlight on holding companies set up to avoid tax
Involvement in such schemes could involve “serious penalties” for taxpayers and agents promoting them.
Involvement in such schemes could involve “serious penalties” for taxpayers and agents promoting them.
In a seminal decision about how s100A applies to trust distributions, the Federal Court rejected the ATO’s...
The court’s decision highlighted the differences between s100A and Part IVA.
A sequence of documents will be required to avoid raising red flags with the ATO, says Change GPS.
More demanding record-keeping requirements in the November draft have been in place since 1 January.
The ATO improves its guiding documents on trust distributions, but too much remains uncertain.
Small rises in the tax thresholds combined with much higher land assessments will hit family investors hardest,...
Many GP practices and their accountants are unaware of rulings that could leave them with thousands in unfunded...
Federal Court clears up doubts over reimbursement agreements but leaves a core question untouched.
Long-awaited decision leaves a central question about “ordinary family or commercial dealings”...
Office optimistic that another meeting with professional bodies can address concerns.